Comments focused on potential double counting and leakage due to accounting for the emissions associated with imported electricity under the Mandatory Reporting Regulation (MRR). Comments pertain to both the Subcommittee…
Comments on the September 6, 2018 draft of the WA Department of Commerce’s proposed fuel mix legislation for 2019, and additional comments following the October 1, 2018 revised draft. Specifically,…
Comments on the design of a cap-and-trade program in Oregon, with two main issues of concern at this stage: the inclusion of a voluntary renewable energy (VRE) set-aside; and accounting…
Comments on the August 23, 2018 initial filing of a petition to introduce a five-year Renewable Natural Gas (RNG) pilot program by CenterPoint Energy. Comments address two topics: introduction of…
A report written by CRS that examines interactions between a new Mexican Emissions Trading System and the existing “clean energy certificate” quota system. Published by the German international development company…
…refugees are stretching resources, and global institutions are struggling to respond. At the same time, many of the countries at greatest risk of conflict also have the highest levels of…
While there are many new and existing mechanisms in China that enable companies to access renewable energy, the Chinese voluntary market is still early in its development, and much more…
This is the Chinese version of Accelerating Corporate Renewable Energy Engagement In China….
Responses to questions for stakeholders regarding how DOER should interpret the requirement that a Qualified Energy Storage System operate “primarily to store and discharge renewable energy,” and how resources participating…
Comments on the December 12, 2018 LEED for Cities and Communities: Existing (Beta) rating system, regarding the “EN Credit: Clean and Green Power” and the “EN Prerequisite: Energy Performance.”